8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
1/87
U.S. Fish and Wildlife Service
Draft Land-Based Wind Energy Guidelines
Recommendations on measures
to avoid, minimize, and compensate for effects to fish, wildlife, and their habitats
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
2/87
ii
Acknowledgements
The U.S. Fish and Wildlife Service (Service) would like to recognize and thank the Wind
Turbine Guidelines Advisory Committee for its dedication and preparation of its Wind
Turbine Recommendations. The Recommendations have served as the basis from which
the Services team worked to develop the Services Draft Guidelines for Land-based WindEnergy Development. The Service also recognizes the tireless efforts of the Regional and
Field Office staff that helped to review and update these draft Guidelines.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
3/87
iii
U.S. Fish and Wildlife Service
Draft Land-based Wind Turbine Guidelines
Table of Contents
List of Acronyms ...........................................................................................................viExecutive Summary .......................................................................................................1
Introduction ........................................................................................................................3A. Overview
History and Purpose ...........................................................................................3Scope ..................................................................................................................5
Implementation of draft Guidelines ...................................................................5
B. Potential Risks to Fish, Wildlife and Their Habitats ...............................................81. Factors to Consider When Assessing Effects ....................................................8
a. Collision and Barotrauma ............................................................................9b. Barrier Effects ..............................................................................................9c. Habitat Loss and Degradation ...................................................................10d. Habitat Fragmentation ...............................................................................10e. Noise ..........................................................................................................11f. Displacement and Behavioral Changes .....................................................11g. Indirect Effects ...........................................................................................11
2. Considerations at the Population Scale ............................................................123. Considerations for Monitoring and Assessment ..............................................124. Considerations for Mitigating ..........................................................................12
C. Relationship to Other Guidelines ...........................................................................121. Authorities under the Law ...............................................................................132. Avian and Bat Protection Plans .......................................................................133. Eagles ...............................................................................................................144. Federal Projects ................................................................................................15
D. Introduction to the Tiered Approach ......................................................................161. Application of the Tiered Approach and Possible Outcomes ..........................162. Application of the Tiered Approach and Risk Assessment .............................203. Applicability of Adaptive Management ...........................................................22
E. Other Elements of the draft Guidelines ................................................................231. Use of Mitigation Policies and Principles ........................................................232. Confidentiality of Site Evaluation Process as Appropriate..............................233. Coordination for Issue Resolution ...................................................................23
Chapter One: The Tiered Approach for Fish and Wildlife Assessment and Siting Decisions
............................................................................................................................................ 24
A. Tier 1: Preliminary Evaluation or Screening of Potential Sites ..............................24Tier 1 Questions ...............................................................................................26
Tier 1 Methods and Metrics .............................................................................26
Tier 1 Decision Process ...................................................................................27
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
4/87
iv
Chapter Two: Tier 2 ........................................................................................................28A. Tier 2: Site Characterization ...................................................................................28
Tier 2 Questions ...............................................................................................28
Tier 2 Methods and Metrics .............................................................................29
Tier 2 Decision Process ...................................................................................31
Chapter Three: Tier 3 .....................................................................................................32
A. Tier 3: Pre-Construction Monitoring and Assessments .........................................321. Tier 3 Questions .....................................................................................................332. Tier 3 Methods and Metrics ...................................................................................33
a. General Recommendations for Pre-construction Monitoring ..........................34b. Assesing Effects to Species .............................................................................35c. Assessing Effects to Habitat ............................................................................36d. Monitoring and Assessment Duration and Intensity ........................................39e. Additional Considerations ...............................................................................40
3.
Tier 3 Decision Process .........................................................................................41
Chapter Four: Tier 4 Post-Construction Monitoring of Effects .................................43A. Tier 4a: Fatality Monitoring...................................................................................43
1. Tier 4a Questions .............................................................................................442. Tier 4a Methods and Metrics ...........................................................................44
a. Duration and frequency of carcass searches ..............................................45b. Number of turbines to monitor ..................................................................49c. Delineation of carcass search plots, transects, and habitat mapping .........49d. General search protocol guidance ..............................................................49e. Field bias and error assessment..................................................................50f. Estimators of fatality ..................................................................................51
B. Tier 4b: Post-Construction Monitoring for Other Effects......................................511. Tier 4b Questions .............................................................................................522. Tier 4b Methods and Metrics ...........................................................................52
a. Habitat Loss and Modification...................................................................52b. Habitat Fragmentation ...............................................................................53c. Barriers....................................................................................................... 53d. Displacement..............................................................................................53e. Noise .......................................................................................................... 54
Chapter Five: Tier 5 ........................................................................................................55
A. Tier 5: Research .....................................................................................................551. Tier 5 Questions ...............................................................................................552. Potential Application of Research ...................................................................563. Designing a Research Project ..........................................................................56
Chapter Six: Mitigation ...................................................................................................57A. Overview................................................................................................................ 57B. Operational Measures ............................................................................................59
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
5/87
v
C. Deterrent Devices...................................................................................................60Chapter Seven: State and Tribal Coordination.61
A. Service-State Coordination and Cooperation.....61B. Service-Tribal Coordination and Cooperation .......................................................61
Appendices ........................................................................................................................65
Appendix A: Glossary........................................................................................... A1-8Appendix B: Best Management Practices..B1-3
Appendix C: Literature Cited.............................................................................. C1-4
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
6/87
vi
Acronyms:
ABPPAvian and Bat Protection PlanAPLICAvian Power Line Interaction Committee
BACIBefore-After Control-Impact study design
BGEPABald and Golden Eagle Protection ActBMPBest Management Practice
CFRCode of Federal Regulations
EOExecutive Order
ESAEndangered Species ActFAAFederal Aviation Administration
FOIAFreedom of Information ActFRFederal RegisterDOIU.S. Department of the Interior
GISGeographic Information System
GPSGlobal Positioning System
HEAHabitat Equivalency AssessmentITPIncidental Take Permit
MBTAMigratory Bird Treaty Act
MWMegawatt
MWhMegawatt hour
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
7/87
Executive Summary
1
Executive Summary
The mission of the U.S. Fish and Wildlife Service is working with others to conserve, protectand enhance fish, wildlife, plants and their habitats for the continuing benefit of the American
people. As part of this, we are charged with implementing statutes including Endangered
Species Act, Migratory Bird Treaty Act, and Bald and Golden Eagle Protection Act. These draftLand-based Wind Energy Guidelines (draft Guidelines) are intended to promote compliance with
these and other relevant wildlife laws and statutes. They call for scientifically rigorous surveys,
monitoring, assessment, and research designs proportionate to the risk to affected
species. The Service encourages project proponents to use the process described in these
voluntary draft Guidelines to address risks to fish and wildlife resources. The Service intends
that these draft Guidelines, when used in concert with the appropriate regulatory tools, will be
the best practical approach for conservation of species ofFederal trust responsibility.
In response to increasing wind energy development in the United States, the U.S. Fish and
Wildlife Service (Service) in July 2003 released for public comment a set of voluntary, interim
guidelines for reducing adverse effects to fish and wildlife resources from wind energy projects.After the Service reviewed the public comments, the Secretary of the Interior (Secretary)
established a Federal Advisory Committee to provide recommendations to revise the guidelines
related to land-based wind energy facilities. In March 2007, the Service announced in theFederal Register the establishment of the Wind Turbine Guidelines Advisory Committee (the
Committee). The Committee submitted its final Recommended Guidelines (Recommendations)
to the Secretary on March 4, 2010. The Service convened an internal working group to review
the Recommendations and develop voluntary draft land-based wind energy guidelines that
consider the Recommendations.
As the United States moves to expand wind energy production, it also must maintain and protectthe Nations fish, wildlife, and their habitats, which wind energy production can negatively
affect. As with all responsible energy development, wind energy projects should adhere to high
standards for environmental protection. With proper diligence paid to siting, operations, and
management of projects, it is possible to mitigate for adverse effects to fish, wildlife, and theirhabitats. This is best accomplished when the developer coordinates as early as possible with the
Service and other stakeholders. Such coordination should commence prior to any financial
obligation or finalization of lease agreements to allow for the greatest range of development andmitigation options.
The Recommendations and U.S. Fish and Wildlife Services Draft Guidelines for Land-based
Wind Energy Development are founded upon a tiered approach for assessing potential adverseeffects to fish and wildlife and their habitats. The tiered approach is an iterative decision making
process for collecting information in increasing detail; quantifying the possible risks of proposed
wind energy projects to fish, wildlife, and habitats; and evaluating those risks to make siting,construction, and operation decisions. Subsequent tiers refine and build upon issues raised and
efforts undertaken in previous tiers. At each tier, a set of questions is provided to help the
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
8/87
Executive Summary
2
developer evaluate the potential risk associated with developing a project at the given location.
The tiered approach guides a developers decision process as to whether or not the selectedlocation is appropriate for wind development. This decision is related to site-specific conditions
regarding potential species and habitat effects.
Briefly, the tiers address:
Tier 1Preliminary evaluation or screening of potential sites (landscape-scale screeningof possible project sites)
Tier 2Site characterization (broad characterization of one or more potential projectsites)
Tier 3Pre-Construction monitoring and assessments (site-specific assessments at theproposed project site)
Tier 4Post-construction monitoring of effects (to evaluate fatalities and other effects)
Tier 5Research (to further evaluate direct and indirect effects, and assess how they maybe addressed)
This framework allows the developer to determine whether sufficient information exists, whether
and how to proceed with development of a project, or whether additional information gathered ata subsequent tier is necessary to make those decisions.
The Service urges voluntary adherence to the draft Guidelines and communication with theService when planning and operating a facility. The Service will regard such voluntary
adherence and communications as evidence of due care with respect to avoiding, minimizing,
and mitigating adverse impacts to species protected under the MBTA and BGEPA, and will take
such adherence and communication fully into account when exercising its discretion with respectto any potential referral for prosecution related to the death of or injury to any such species.
The draft Guidelines include best available methods and metrics to help answer the questionsposed at each tier. Research on wind energy effects on fish, wildlife, and their habitats is ongoing
and new information is made available on a regular basis. Substantial variability can exist
among project sites and as such, methods and metrics should be applied with the flexibility toaddress the varied issues that may occur on a site-by-site basis, while maintaining consistency in
the overall tiered process. As research expands and provides new information, these methods
and metrics will be updated to reflect current science. The Service has created a website
(http://www.fws.gov/windenergy) with the latest information on best management practices,policies, survey techniques, and other information to help support these draft Guidelines.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
9/87
Introduction
3
Introduction
A. OVERVIEWThe mission of the U.S. Fish and Wildlife Service is working with others to conserve, protectand enhance fish, wildlife, plants and their habitats for the continuing benefit of the American
people. As part of this, we are charged with implementing statues including the Endangered
Species Act, Migratory Bird Treaty Act, and Bald and Golden Eagle Protection Act. Thesestatutes prohibit taking of federally listed species, migratory birds and eagles unless otherwise
authorized. These draft Guidelines are intended to:
(1) Promote compliance with relevant wildlife laws and statutes;(2) encourage scientifically rigorous survey, monitoring (see Glossary for
bolded text definitions), assessment, and research designs proportionate to the
risk to affected species;
(3) produce potentially comparable data across the Nation;(4) avoid, minimize, and/or compensate for potential adverse effects on fish,
wildlife and their habitats; and,
(5) improve the ability to predict and resolve effects locally, regionally, andnationally.
The Service encourages project proponents to use the process described in these draft voluntary
Land-based Wind Energy Guidelines (draft Guidelines) to address risks to fish and wildlife
resources. The Service intends that these draft Guidelines, when used in concert with the
appropriate regulatory tools, will be the best practical approach for conservation of species of
Federal trust responsibility.
1. History and PurposeClimate change may be one of the greatest challenges the Service has ever faced in conserving
fish, wildlife, and their habitats. Energy conservation, product recycling and reuse, and
other ways of reducing our footprint on the landare necessary for the health of the planets
ecosystems. The Service believes exploring alternative energy sources (i.e., renewable vs.
fossil fuel) will, in part, play an important role in addressing these complex conservation issues.
However, a projects potential contribution to one aspect of ecosystem health (e.g., air quality)
should not be at the expense of other aspects of the ecosystem. The Service supports the
development of wind power as an alternative energy source; however, wind energy facilities can
have negative effects on fish, wildlife, and their habitats. With proper diligence paid to siting,operations, and management of projects, it is possible to mitigate for some of the adverse
effects to fish, wildlife, and their habitats. This is best accomplished through early coordination
with the Service and other stakeholders. Such coordination should occur prior to any financial
obligation or finalization of lease agreements to allow for the greatest range of development and
mitigation options.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
10/87
Introduction
4
In July 2003, the Service released for public comment a set of voluntary, interim guidelines to
assist developers in avoiding, minimizing, and/or compensating for effects to fish, wildlife, andtheir habitats related to land-based, wind energy facilities. Following an extended public
comment period and review of public comments, the Secretary of the Interior (Secretary)
established the Wind Turbine Guidelines Advisory Committee (Committee) under the Federal
Advisory Committee Act. After more than two years of deliberations, the Committee submittedits final recommendations to the Secretary on March 4, 2010. The Service then convened an
internal working group to review the Committees recommendations. The working group
decided to use the recommendations as a basis to develop the Services draft wind energyGuidelines. These draft Guidelines describe the information needed to identify, assess, mitigate,
and monitor the potential adverse effects of wind energy projects on fish, wildlife, and their
habitats, using a consistent and predictable approach, while providing flexibility to accommodatethe unique circumstances of each project.
Understanding how to avoid or minimize effects to certain species is important for
compliance with a number of wildlife statutes including the Migratory Bird Treaty Act, the Bald
and Golden Eagle Protection Act, and the Endangered Species Act. While adherence to thesedraft Guidelines demonstrates a good faith effort to develop and operate projects consistent with
relevant wildlife laws, it does not provide authorization to take (see Glossary, Appendix A, forall definitions) fish and wildlife under any applicable statute. If take is expected to occur, and if
appropriate authorization is available under the applicable statute, the developer should obtain
that authorization; if appropriate authorization is not available, the developer should avoid take.
These draft Guidelines are intended to promote compliance with relevant wildlife laws and
statutes; encourage scientifically rigorous survey, monitoring, assessment, and research
designs proportionate to the risk to affected species; produce potentially comparable dataacross the Nation; facilitate potential analyses of trends and patterns of effects at multiple sites;
and ultimately improve the ability to predict and resolve effects locally, regionally, and
nationally. The Service encourages project proponents to use the process described in these draft
voluntary Guidelines to address risks to fish and wildlife resources.
Founded upon a tiered approach, the draft Guidelines present an iterative decision making
process for collecting information in increasing detail; analyzing the possible risks of proposedwind energy projects to fish, wildlife, and their habitats; and evaluating those risks to make
siting, construction, and operation decisions. Subsequent tiers refine and build upon issues
raised and efforts undertaken in previous tiers. At each tier, a set of questions is provided to helpthe developer identify potential problems associated with each phase of a project, and to guide its
decision process. The tiered approach is designed to assess the risks of project development by
formulating questions that relate to site-specific conditions regarding potential effects to species
and habitat.
Additionally, these draft Guidelines provide best management practices, best available
technologies, and mitigation recommendations to address interactions between wind energy
development and affected species. Following these draft Guidelines should result in greatercertainty for wind energy developers, may expedite permitting by authorities, and may help
demonstrate compliance to assure funding sources. Using the draft Guidelines may also result in
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
11/87
Introduction
5
greater certainty for the public. The common metrics outlined in these draft Guidelines should
also help ensure access to data, allowing for the development of a central repository that can beused to conduct regional- and landscape-scale analyses.
2. ScopeThe draft Guidelines are designed to be used by all utility- and community-scale land-basedwind energy projects to reduce potential impacts to fish and wildlife, regardless of whether they
are proposed for private or public lands. While the Guidelines are designed to address wind
energy projects at any scale, all wind project proponents, including those projects withanticipated very low levels of risk, are encouraged to coordinate early with the Service to
determine the applicability of all tiers given site-specific conditions. The Service will work with
community-scale wind turbine proponents to accommodate the application of the guidance for
small proposals with anticipated very low levels of risk. Offshore wind energy projects mayinvolve another suite of effects and analyses not addressed here.
The Service considers a project to include all phases of wind energy development, including,
but not limited to, prospecting, site assessment, construction, operation, and decommissioning, aswell as all associated infrastructure and interconnecting electrical lines. A project site is theland and airspace where development occurs or is proposed to occur, including the turbine pads,
roads, power distribution and transmission lines on or immediately adjacent to the site; buildingsand related infrastructure, ditches, grades, culverts; and any changes or modifications made to
the original site before develop occurs. Airspace, including existing or proposed rotor-sweptareas, should be considered as part of the project site. This includes the space between theactual infrastructures. Project evaluations should consider all potential effects to fish, wildlife,
and their habitats, collectively referred to as affected resources.
Evaluations should also take into account measures to reduce adverse effects, such as those
occurring from electrical lines as outlined in the Avian Power Line Interaction Committee BestPractices (1994, 2006, 2010 final draft) for collision and electrocution, and Service lighting
guidance (Service Wind Energy website:http://www.fws.gov/windenergy). Mitigationincludes actions to avoid, minimize, and/or compensate for adverse effects resulting from a
project. Compensation, as part of mitigation, is the replacement or offsetting of project
induced losses to fish and wildlife resources. The area of influence is a three dimensional
area that includes the project site, and the area of potential directand indirect effects of theproject (See Figure 1). These draft Guidelines are not designed to address power transmission
beyond the point of interconnection to the transmission system.
3. Implementation of draft GuidelinesThe Service recommends the use of these draft Guidelines at the earliest planning stage ofproposed projects to ensure early consideration of avoidance and minimization of effects to
wildlife and to address requirements of the ESA, MBTA, and BGEPA. For projects alreadyin
the development or operational phase, implementation of all levels of the recommended tieredapproach may not be applicable. The Service recommends that existing projects implement
those portions of the draft Guidelines relevant to the continuing phases of the project in
http://www.fws.gov/windenergyhttp://www.fws.gov/windenergyhttp://www.fws.gov/windenergyhttp://www.fws.gov/windenergy8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
12/87
Introduction
6
coordination with the Service. Projects already in operation should adhere to recommendations
in Tier 4 and Tier 5.
Questions that arise within each tier can be addressed though regular coordination among
Service Field Office personnel, wildlife consultants, developers, conservation organizations, and
other relevant jurisdictional entities. Implementation of these draft Guidelines may best beaccomplished through development of Avian and Bat Protection Plans (ABPP) or similar plans
that highlight an adaptive approach to reduce the operational risks resulting from bird and bat
interactions with a wind energy facility.
A benefit of following the approach recommended in these draft Guidelines is that in the event of
later adverse environmental effects, the developer will be able to demonstrate that it adhered tothese draft Guidelines, communicated with Service, and considered the advice of the Servicein
projectsiting, construction and operation (see Authorities Under the Law below).
For future projects, voluntaryadherence and communication means that the developer has
applied these draft Guidelines, including the tiered approach, through site selection, design,construction, operation and post-operation phases of the project, and has communicated with
Service and followed its advice to the maximum extent practicable.
For existing project or projects under development when the draft Guidelines are published,
voluntary adherence and communication means that the developer has communicated with
Service and can produce records that demonstrate that it has applied recommendations of thetiered approach relevant to remaining activities of the project and/or implemented adaptivemanagement to incorporate recommendations of these draft Guidelines into the project. Such
projects should have incorporated the best available guidance at the time (see Authorities Underthe Law below).
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
13/87
Introduction
7
Figure 1. Theoretical diagram showing areas and possible relationships between them.
Project Site
SpeciesDistribution
Extent of
Direct Effects
Area of Influence
Extent of
Indirect
Effects
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
14/87
Introduction
8
B. POTENTIAL RISKS TO FISH, WILDLIFE, AND THEIR HABITATSIn order to understand and follow these draft Guidelines, it is important to have a basic
understanding of the potential for species and habitats to be affected by wind energydevelopment. For a discussion of such effects, please refer to the Service Wind website. There
is no substitute for conferring with experts and resource agency staff with an understanding of
the pertinent species, habitats, and literature on effects, surveying and monitoring techniques,and relevant conservation measures.
Siting of a wind energy project is the most important element in avoiding effects to species and
their habitats. The Service recommends that developers carefully investigate sites at the
landscape as well as local scale to determine whether there is a risk of direct or indirect effects tospecies and their habitats. Direct effects include blade strikes, barotrauma, loss of habitat, and
displacement. Indirect effects occur later in time and include introduction of invasive
vegetation that result in alteration of fire cycles; increase in predators or predation pressure;
decreased survival or reproduction of the species; and decreased use of the habitat that may
result from effects of the project or resulting habitat fragmentation.
1. Factors to Consider When Assessing EffectsSeveral factors should be considered to assess the potential effects to various species. First, the
potential for presence of the species in the area of influence during the life of the project shouldbe considered. Assessing species use from databases and site characteristics is a potential first
step; however, it can be difficult to assess potential use by certain species from site
characteristics alone. Various species in different locations may require developers to use
specific survey protocols or make certain assumptions regarding presence. Seek local wildlifeexpertise, such as Service Field Office staff, in using the proper procedures and making
assumptions.
Species that are rare or cryptic; that migrate, conduct other daily movements, or use areas forshort periods of time; that are small in size or nocturnal; or that have become extirpated in parts
of their historical range will present particular challenges when trying to determine potentialpresence. One of these challenges is migration, broadly defined as the act of moving from
one spatial unit to another (Baker 1978), or as a periodic movement of animals from one location
to another. Migration is species-specific, and for birds and bats occurs throughout the year.
Such movements should be considered for all potentially affected species, including flyinginsects and species that migrate on the ground.
Developers should conduct monitoring of potential sites to determine the types of migratoryspecies present, what type of spatial and temporal use these species make of the site (e.g.,
chronology of migration or other use), and the ecological function the site may provide in terms
of the migration cycle of these species. Wind developers need to determine not only whatspecies may migrate through a proposed development site and when, but also whether a site may
function as a staging area or stopover habitat for wildlife on their migration pathway.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
15/87
Introduction
9
For some species, movements between foraging and breeding habitat, or between sheltering and
feeding habitats, occur on a daily basis. Consideration of daily movements (morning andevening; coming and going) is a critical factor when considering project development.
Once likely presence has been determined or assumed, determine level of exposure regarding
various risk factors, including abundance, frequency of use, habitat use patterns, and behavior.Finally, consider and/or determine the consequences to the populations and species.
Below is a brief discussion of several types of risk factors that should be considered. This does
not include all potential risk factors for all species, but addresses the most common ones.
a. Collision and BarotraumaThe Service is concerned about effects to birds and bats from collisions and barotrauma caused
by moving blades and wind wake turbulence. Collision likelihood for individual birds and bats
at a particular wind energy facility may be the result of complex interactions among species
distribution, relative abundance," behavior, visibility, weather conditions, and site
characteristics. Collision likelihood for an individual may be low regardless of abundance if itsbehavior does not place it within the rotor-swept zone. Individuals that frequently occupy the
rotor-swept zone but effectively avoid collisions are also at low likelihood of collision with aturbine.
Alternatively, if the behavior of individuals frequently places them in the rotor-swept zone, and
they do not actively avoid turbine blade strikes, they are at higher likelihood of collisions withturbines regardless of abundance. Some species, even at lower abundance, may have a higher
collision rate than similar species due to subtle differences in their ecology and behavior.
At many projects, the numbers of bat fatalities are higher than the numbers of bird fatalities, butthe exposure risk of bats at these facilities is not fully understood. Researchers (Horn et al. 2008
and Cryan 2008) hypothesize that some bats may be attracted to turbines, which, if true, would
further complicate estimation of exposure. A recent study (Long et al. 2010) found certain
colors attracted significantly more insects, suggesting turbine color may play a role in potentialeffects to insect-eating birds and bats. Further research is required to determine whether bats are
attracted to turbines and if so, whether this increased individual risk translates into higher
population-scale effects.
Along with the observed direct fatalities from barotrauma, there may be lesser injuries, such as
hearing impairment and other internal injuries that may allow the bats to fly or otherwise moveaway from the vicinity but would ultimately result in their death (Kozuka et al 1997). As a
result, estimates of bat fatalities from carcass searches may underestimate total fatalities.
b. Barrier EffectsBarrier effectscan occur when a species avoidance of a wind facility results in decreasedmovement or an increase in energy use to circumvent the facility (Goodale and Divoll 2009).
Avoidance of the area may also occur as the result of noise or habitat loss due to construction ofroads and other structures associated with facility development (Fox et al. 2006). The level of
barrier effect depends on species, turbine layout, size of wind facility, season, and the species
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
16/87
Introduction
10
ability to compensate for losses in energy due to avoidance, among other variables (Langston
and Pullan 2003; Fox et al. 2006). Though population-scale effects currently have not beendocumented, scientists are concerned that barriers between breeding and feeding areas may
have significant effects (Fox et al. 2006; Goodale and Divoll 2009; Drewitt and Langston 2006).
The combined barrier effect of multiple wind facilities is also a concern as wind energy
development becomes more prevalent (Drewitt and Langston 2006). The barrier effect has beendocumented fairly extensively in several offshore wind projects (Guarnaccia and Kerlinger 2007)
where modified behaviors by various bird species have been recorded at distances of between
100 meters and 3 kilometers from turbine arrays (Drewitt and Langston 2006; Exo et al. 2003;Tulp et al. 1999; Christensen et al. 2004; Kahlert et al. 2005; and Pettersson et al. 2005; Desholm
and Kahlert 2005; and Percival 2001).
Barrier effects are related to displacement (see section F). Displacement occurs when a species
decreases or discontinues use of an area due to a human activity. For instance, on Kodiak Island,
Alaska, eagles discontinued flying over a portion of a ridge once turbine towers had been
constructed along that portion of the ridge (Sharp et al. 2010). Pre- and post-construction
comparison study of Golden Eagle (Aquila chrysaetos) use for a wind facility in Argyll,Scotland, the findings showed that a pair of resident Golden Eagles altered their ranging
behavior to avoid the entire wind facility area post-construction, except when interceptingintruding birds (Walker et al. 2005). Although not directly related to displacement resulting
from wind projects, a study in Oklahoma (Pruett et al. 2009) found that individuals of greater and
lesser prairie-chickens (Tympanuchus pallidicinctus) avoided power lines by at least 100 meters.
Movement corridors are important for a variety of reasons: to maintain genetic diversity, retain
ecological processes, save populations from extirpation, and possibly provide habitat for the
movement of organisms affected by climate change (Chetkiewicz et al. 2006). Wind turbinesand associated transmission lines are likely to be a barrier to movement for some species due to
the avoidance of tall structures and human activity (Robel et al. 2004).
c. Habitat Loss and DegradationWind project development results in direct habitat loss and habitat modification, especially at
sites previously undeveloped. Many of North America's native landscapes are greatly
diminished or degraded from multiple causes unrelated to wind energy. Important remnants ofthese landscapes are identified and documented in various databases held by private conservation
organizations, state wildlife agencies, and, in some cases, by the Service. Species that depend on
these landscapes are susceptible to further loss of habitat, which will affect their ability to
reproduce and survive. While habitat lost due to footprints of turbines, roads, and other
infrastructure is obvious, less obvious is the potential reduction of habitat quality.
d. Habitat FragmentationHabitat fragmentation separates blocks of habitat for some species into segments, such that the
individuals in the remaining habitat segments may suffer from effects such as decreased survival,
reproduction, distribution, or use of the area. Site clearing, access roads, transmission lines, andarrays of turbine towers may displace some species or fragment continuous habitat areas into
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
17/87
Introduction
11
smaller, isolated tracts. Habitat fragmentation is of particular concern when species require large
expanses of habitat for activities such as breeding, foraging, and sheltering.
Habitat fragmentation can result in increases in edge resulting in direct effects of barriers and
displacement as well as indirect effects of nest parasitism and predation. Sensitivity to
fragmentation effects varies among species.
Habitat fragmentation and site modification are important issues that should be assessed at the
landscape scale early in the siting process. Identify areas of high sensitivity due to the presenceof blocks of native habitats, paying particular attention to known or suspected species sensitive
to habitat fragmentation.
e. NoiseTurbine blades at normal operating speeds can generate levels of noise beyond ambient
background levels. Construction and maintenance activities can also contribute to noise levels
by affecting communication distance, an animals ability to detect calls or danger, or to forage.Noise associated with developments can also cause behavioral and/or physiological effects,
damage to hearing from acoustic over-exposure, and masking of communication signals andother biologically relevant sounds (Dooling and Popper 2007). Some birds are able to shift their
vocalizations to reduce the masking effects of noise. However, when shifts dont occur or areinsignificant, masking may prove detrimental to the health and survival of wildlife (Barber et al.
2010). Data suggest noise increases of 3 dB to 10 dB correspond to 30 percent to 90 percentreductions in alerting distances for wildlife, respectively (Barber et al. 2010).
Noise effects to wildlife should be included as a factor in wind turbine siting and operation. Thisincludes an understanding: of how wind facilities affect background noise levels and elevate
noise levels above background; how and what masking, disturbance, and acoustical
fragmentation occurs; turbine noise levels and construction and maintenance noise levels in all
topographic areas; and, day and night ambient and turbine noise levels. Measurements should befrequency weighted for fish and wildlife species. Refer to the Service Wind Energy website
for more information about effects of noise to wildlife.
f. Displacement and Behavioral ChangesEstimating displacement risk requires an understanding of animal behavior in response to aproject and its infrastructure and activities, and a pre-construction estimate of presence/absence
of species whose behavior would cause them to avoid or seek areas in proximity to turbines,
roads, and other components of the project. Displacement is a function of the sensitivity of
individuals to the project and activity levels associated with operations.
g. Indirect EffectsWind development can also have indirect effects to wildlife and habitats. Indirect effects includereduced nesting and breeding densities and the social ramifications of those reductions; loss or
modification of foraging habitat; loss of population vigor and overall population density;
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
18/87
Introduction
12
increased isolation between habitat patches, loss of habitat refugia; attraction to modified
habitats; effects on behavior, physiological disturbance, and habitat unsuitability. Indirect effectscan result from introduction of invasive plants; increased predator populations or facilitated
predation; alterations in the natural fire regime; or other effects, and can manifest themselves
later in time than the causing action.
2. Considerations at the Population ScaleMortality due to collisions may significantly contribute to the decline of a population that is
already under stress, incurs high mortality, or has poor reproductive success. Assessing
population-scale effects may not be as simple as assessing effects to individuals of a species.Population-scale significance of decreases in useable habitat (through habitat loss, degradation,
fragmentation, or displacement) can be complicated and depend on the amount of habitat
available to the affected population. If the loss of habitat results in habitat fragmentation, the
risk to the demographic and genetic viability of the isolated animals is increased. The maincauses of population change will likely come from effects to a species reproduction, survival, or
distribution (e.g., reduced utilization of habitats).
3. Considerations for Monitoring and Assessment
The most current and appropriate protocols should be used to determine potential species
presence, including use of the area of influence and the nature of that use (e.g., resident,
migration stopover, foraging). Various methods to avoid, minimize, and/or compensate for
adverse effects will have different levels of certainty. Similarly, different sites, species, and
habitats will have different levels of inherent risk. Monitoring may need to be developed oradapted on a site-specific and species-specific basis, but it should be as standardized as possible
so that the data will be as comparable as possible for regional or continent-wide analyses. For
instance, in order to truly understand the effects of multiple wind energy developments on fish,
wildlife, and their habitats, a larger cumulative effects analysis may be necessary. Monitoring
should be designed to support the adaptive management decision-making/assessment process.
4. Considerations for Mitigating
After assessing potential risk from exposure to various factors (e.g., collision, habitat loss,
displacement) and portions of a project (e.g., turbines, roads), the developer should take
appropriate steps to avoid or minimize effects. In some specific cases, compensation may beappropriate to consider in lieu of avoidance and minimization of effects; in other cases,
avoidance is a statutory requirement and is typically the preference of the Service. When used,
compensation must be commensurate with the effects anticipated. When substantial uncertaintyexists, research and adaptive management may assist with mitigating project effects after
development. The set of mitigation measures used (including various forms of avoidance,
minimization, and/or compensation) should be appropriate for the affected resources and theanticipated level of effects and uncertainty.
C. RELATIONSHIP TO OTHER GUIDELINES
These draft Guidelines replace the Services 2003 interim voluntary guidelines. The Service
intends that these draft Guidelines, when used in concert with the appropriate regulatory tools,
will be the best practical approach for conservation of species ofFederal trust responsibility.
Other federal, state, tribal and local governments may use these draft Guidelines to complement
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
19/87
Introduction
13
their efforts to address wind energy development/fish and wildlife interactions. They are not
intended to supplant existing regional or local guidance, or landscape-scale tools forconservation planning, but were developed to support efforts to provide a means of compliance
with Service regulatory statutes. The Service will continue to work with states, tribes, and other
local stakeholders on map-based tools, decision-support systems, and other products to help
guide future development and conservation. Project proponents should utilize the appropriate jurisdictional entities guidance, which will depend on the species and resources potentially
affected by proposed developments.
1. Authorities under the LawThese draft Guidelines are not intended nor shall they be construed to limit or preclude theService from exercising its authority under any law, statute, or regulation, or from conducting
enforcement action against any individual, company, or agency. They are not meant to relieve
any individual, company, or agency of its obligations to comply with any applicable federal,
state, tribal, or local laws, statutes, or regulations.
Ultimately it is the responsibility of those involved with the planning, design, construction,
operation, maintenance, and decommissioning of wind projects to conduct relevant fish, wildlife,and habitat evaluation (e.g., siting guidelines, risk assessment, etc.) and determine, which, if any,
species may be affected. The results of these analyses will inform all efforts to achieve
compliance with the appropriate jurisdictional statutes. Project proponents are responsible for
complying with applicable state and local laws.
Consideration of the draft Guidelines in MBTA and BGEPA Enforcement
The Service urges voluntary adherence to the draft Guidelines and communication with Service
when planning and operating a facility. Service will regard such voluntary adherence and
communication as evidence of due care with respect to avoiding, minimizing, and mitigating
adverse impacts to species protected under the MBTA and BGEPA, and will take such adherenceand communication fully into account when exercising its discretion with respect to any potential
referral for prosecution related to the death of or injury to any such species. Each developer will
be responsible for maintaining internal records sufficient to demonstrate adherence to the draftGuidelines. Examples of these records could include: studies performed in the implementation
of the tiered approach; an internal or external review or audit process; an Avian and Bat
Protection Plan; or a wildlife management plan. Service retains its existing authority to inspectand assess the sufficiency of those records.
2. Avian and Bat Protection PlansA project-specific Avian and Bat Protection Plan (ABPP) documents the steps a developer takes
to avoid and minimize effects to birds and bats, and (if applicable) documents compensation
measures taken and incorporates adaptive management. Typically, a project-specific ABPP will
document the analyses, studies, and reasoning that support progressing from one tier to the nextin the tiered approach described in these draft Guidelines. Often, an ABPP will be developed in
stages, over time, as analysis and studies are undertaken for each tier. It will also address the
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
20/87
Introduction
14
post-construction monitoring efforts for mortality and habitat effects, and may use many of the
components suggested in the APLIC and Service Avian Protection Plan Guidelines.
3. EaglesBecause both bald eagles (Haliaeetus leucocephalus) and golden eagles are protected underBGEPA, the new permit regulations apply to golden eagles as well as bald eagles. 50 CFR 22.26
allows take of both species of eagles (including disturbance and limited take resulting in
mortality), and 50 CFR 22.27 would allow the take of nests of both species for eagle and humanhealth and safety reasons, and in other limited circumstances.
Under section 22.26, the take of an eagle refers to the non-purposeful disturbance, wounding orkilling of eagles that are associated with but not the purpose of an activity, such as the
construction and operation of a wind facility. Based on the overall goal of maintaining stable or
increasing breeding populations of both species, take can only be authorized when it is
compatible with the preservation of bald eagle and golden eagle populations.
Both regulations include provisions for programmatic take, defined under 50 CFR 22.3 as
take that is recurring, is not caused solely by indirect effects, and that occurs over the long termor in a location or locations that cannot be specifically ident ified. Programmatic take permitsunder sections 22.26 and 22.27 may be issued only where take is unavoidable despite
implementation of Advanced Conservation Practices developed in cooperation with the Service.
ACPs are scientifically supportable measures that are approved by the Service and represent thebest available techniques to reduce eagle disturbance and ongoing mortalities to a level where
remaining take is unavoidable.
As of December 2010, the Service is only considering golden eagle take permits for safety
emergencies, programmatic permits, and any other permits that will result in a reduction of
ongoing take or a net take of zero because of concerns regarding population declines of golden
eagles across the four large Bird Conservation Regions in the West. The same standards apply tothe bald eagle in the Sonoran Desert, where the bald eagle continues to be listed under the ESA.
All permit applicants must provide documentation that they have included all practicable
avoidance and minimization measures in their planning. Practicable is defined in the 50 CFR
Part 22 as capable of being done after taking into consideration, relative to the magnitude of the
impacts to eagles, the following three things: the cost of remedy compared to proponent
resources; existing technology; and logistics in light of overall project purposes. Additionalinformation can be found in the 50 CFR Part 22 and Final Environmental Assessment, Proposal
to Permit Take Provided Under the Bald and Golden Eagle Act.
The draft Eagle Conservation Plan Guidance was created to be compatible with the more
general these draft Guidelines. However, because the draft Eagle Conservation Plan Guidance
describes actions necessary or recommended to comply with the regulatory requirements in the
BGEPA for an eagle take permit as described in 50 CFR 22.26, they are more specific in nature.The Eagle Conservation Plan Guidance is intended to provide a national framework for assessing
and mitigating risk specific to eagles through development of Eagle Conservation Plans.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
21/87
Introduction
15
4. Federal ProjectsSome projects may require federal authorization or funding to proceed with development. In
these cases where the prospective developer requires federal authorization or funding to proceed,
the lead federal agency may recommend the developer incorporate these draft Guidelines
into the project design.
Federal agencies are bound by their own agency-specific statutes, as well as, by the MBTA,
BGEPA, ESA, Executive Orders such as EO 13186, Responsibilities of Federal Agencies to
Protect Migratory Birds, and the National Environmental Policy Act. These draft Guidelinesshould be viewed as complementary to other federal law and policy that may direct information
collections and considerations in siting projects. The Service is available to assist other federal
agencies and project proponents in integrating these draft Guidelines into the project design.
D. INTRODUCTION TO THE TIERED APPROACH
The draft Guidelines follow a tiered approach, an iterative process for evaluating the risks and
minimizing the effects of a wind energy development project to fish, wildlife and their habitats.
The tiered approach provides a framework for collecting information in increasing detail toevaluate risk and make siting and operational decisions. This approach allows efficient use of
developer and wildlife agency resources with increasing levels of effort until sufficient
information and the desired accuracy and precision are acquired for the risk assessment.
The tiered approach is designed to lead to the appropriate amount of evaluation in proportion to
the anticipated level of risk. Duration and intensity ofmonitoring and assessment and
research plans should be tailored to the unique characteristics of each site and the correspondingpotential for adverse effects to resources as determined through the tiered approach. In
particular, the risk of adverse effects to resources tends to be a function of site location as well as
the size of the project. A small project in a sensitive location may pose greater risk to resources
than a larger site in a less sensitive location, and would therefore require more pre- and post-construction surveys, monitoring, and research than the larger site. This is why the tiered
approach begins with an examination of the potential location of the project, not the size of the
project. In all cases, data collection plans and selection of appropriate methods and techniquesshould be tailored to the relative scale, location, and potential for adverse effects of the proposed
site.
1. Application of the Tiered Approach and Possible OutcomesFigure 2 illustrates the tiered approach, which consists of up to five iterative stages, or tiers:
Tier 1Preliminary evaluation or screening of potential sitesTier 2Site characterizationTier 3Pre-construction monitoring and assessments
Tier 4Post-construction monitoring of effects
Tier 5Research
At each tier, potential issues associated with developing or operating a project are identified and
questions formulated to guide the decision process. This document outlines the questions to be
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
22/87
Introduction
16
posed at each tier, and describes recommended methods and metrics for gathering the data
needed to answer those questions.
If sufficient data are available at a particular tier, the following outcomes are possible based on
analysis of the information gathered:
1. The project is abandoned because the risk is considered unacceptable.2. The project proceeds in the development process as designed without additional data
collection.3. The project proceeds with project modification and additional data collection.
If data are insufficient during pre-construction tier assessments, the project proponent shouldcollect additional data before starting construction.
If, for example, adequate data are available from monitoring or assessments of the site being
evaluated or from nearby sources, additional assessments may be unnecessary. A reduced level
of survey effort may be warranted for certain projects, such as infill development, projects
with low potential risk for adverse effects, some repowering projects, or projects contiguous toexisting low-effect wind energy facilitiesprovided these projects have sufficient credible
information regarding effects. In any case, existing data should be reviewed by interestedfederal, state, local, and tribal agencies to determine the adequacy of the information. After
coordination with the relevant agencies, additional analyses may not be necessary if a species is
unlikely to be present or is present but adverse effects are unlikely.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
23/87
Introduction
17
Figure 2. Decision Tree for Tier Approach
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
24/87
Introduction
18
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
25/87
Introduction
19
2. Application of the Tiered Approach and Risk AssessmentThe Service is concerned about limited data being used to make long-term assumptions oneffects. Limited data may not be representative of future years because data was collected during
seasons with extremes in weather conditions, or due to changes brought about by global climate
change or changes in species distribution. When uncertainty exists as to whether an action hasrisk of causing negative effects to species or habitats, the burden of proof that an action is not
harmful falls on those taking the action. Planning, design, and operation decisions should be
made considering such uncertainties and risk, and in a manner that strives to avoid or minimizethe risk of adverse effects on resources, rather than delaying decisions until all necessary data are
available. In cases of uncertainty regarding risks to wildlife, project planning and development
should proceed with appropriate consideration for conservation of the species concerned, and
implement measures commensurate to the potential risks to the species.
Risk can be defined by two factors. The first is the likelihood that adverse direct and indirect
effects will occur to individuals or populations. The second is the consequences/severity of
those adverse effects. Each project site varies in species composition, wind technology used,topographical setting, weather patterns, and other factors that make comparisons extremely
difficult.
Risk assessment should incorporate sufficient data to estimate exposure and predict effects for
individuals and their habitats for the potentially affected species, with what is known about the
population status of these species. This should be accomplished in communication with therelevant wildlife agency and industry wildlife experts.
Predicting risk may help determine appropriate mitigation measures, if they are necessary. In the
tiered approach, risk assessments conducted in Tiers 1 and 2 require less information to reach a
risk-based decision than those conducted at subsequent tiers. In Tier 1, the assessments arecoarse and are conducted at the landscape scale.
Assessing potential wind development sites at the landscape scale is important for various
reasons. Performing a Tier 1 review may offer early guidance about the sensitivity of a site
within its larger landscape context. A careful review of a landscape may help a developer avoid
sites with a potential for high risk to species and habitat resulting in more intensive pre-construction assessments or increased mitigation requirements. Discussions with federal, state,
tribal, and/or local agencies in a region being considered for development can facilitate better
collection and interpretation of information and result in a better Tier 1 process, likelybenefitting the project proponents. Where concerns about effects are discovered, specific high-
risk sites or even high-risk landscapes should be avoided.
In Tier 2, assessments focus on one or more potential sites, including the possible areas ofinfluence for those sites. Tier 2 should involve sufficient site visits to verify information found
during Tier 1, on maps, and in databases. Tier 2 will help inform developers regarding the type
of data to collect in Tier 3.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
26/87
Introduction
20
Tier 3 generally focuses on a specific prospective site and its area of influence, includes site-
specific data collection to assess potential risk, and may also include data collection andassessment that will continue into and through Tiers 4 and 5. Any Before- After studies should
be initiated during Tier 3.
The Service Wind Energy website has current information to help a developer understand whichsurvey methods may be most appropriate for a given site and species or habitats, including
whether permits are needed and other relevant information. Risk-assessment tools useful during
the first three tiers include recognized methods for understanding migration patterns, passagerates, and local distribution of birds and bats. Methods may include visual or acoustic
observation protocols that involve low or high levels of technology, handling individuals of the
species, or other techniques. Each set of techniques has advantages and disadvantages that areimportant to understand.
Tiers 4 and 5 involve post-construction monitoring and research. Collecting information
following construction will help verify assumptions and inform future projects and adjustments.
For instance, in the event additional turbines are proposed for an existing project, results fromTier 4 and 5 data collection and the decision-making framework in the tiered approach can be
used to determine whether the project should be expanded and whether additional informationshould be collected. It may also be necessary to evaluate whether additional measures are
warranted to reduce adverse effects to species.
Research projects may occur at the same time as project-specific Tier 3 and 4 data collection. Itis important during Tier 2 to anticipate the need for research in subsequent tiers, as certain
research designs will require access to the site and initiation of work as early as Tier 3. Much
uncertainty remains about predicting risk and estimating effects of wind energy development onwildlife. Additional research is needed to improve science-based decision making regarding
siting wind energy facilities, evaluating effects on wildlife and habitats, and testing the efficacy
of mitigation measures. More-extensive studies are needed to further determine patterns and test
hypotheses regarding possible solutions to wildlife and wind energy effects.
Research may be undertaken collaboratively with appropriate stakeholders, and is generally not
the sole or primary responsibility of any single developer. However, in some cases, project-specific research may be needed or recommended. Research partnerships involving diverse
players will be helpful for generating common goals and objectives and adequate funding to
conduct studies. Monitoring and research should be designed and conducted to ensure unbiaseddata collection.
It is in the interests of wind developers and wildlife agencies to improve research to better avoid,
minimize, or compensate for the effects of wind energy development on wildlife and theirhabitats. Research to improve predictions and align pre-construction risk with estimates of post-
construction effects is a high priority. Research can provide data on operational factors (e.g.,
wind speed, wind wake, blade tip vortices, and weather conditions) that are likely to result in
fatalities. It could also include studies ofcumulative effects of multiple wind energy projects,or comparisons of different methods for assessing avian and bat activity relevant to predicting
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
27/87
Introduction
21
risk. It may also be necessary to evaluate whether additional measures are warranted to reduce
adverse effects to species, or to inform the adaptive-management process.
3. Applicability of Adaptive ManagementAdaptive management is an iterative learning process producing improved understanding andimproved management over time (Williams et al 2007). The Department of the Interior
determined that its resource agencies, and the natural resources they oversee, could benefit from
adaptive management. Use of adaptive management in the DOI is guided by the DOI Policy onAdaptive Management. DOI adopted the National Research Councils 2004 definition of
adaptive management, which states:
Adaptive management [is a decision process that] promotes flexible decisionmaking that can be adjusted in the face of uncertainties as outcomes from
management actions and other events become better understood. Careful
monitoring of these outcomes both advances scientific understanding and helps
adjust policies or operations as part of an iterative learning process. Adaptivemanagement also recognizes the importance of natural variability in contributing
to ecological resilience and productivity. It is not a trial and error process, but
rather emphasizes learning while doing. Adaptive management does notrepresent an end in itself, but rather a means to more effective decisions and
enhanced benefits. Its true measure is in how well it helps meet environmental,
social, and economic goals, increases scientific knowledge, and reduces tensionsamong stakeholders.
This definition gives special emphasis to uncertainty about management effects, iterative
learning to reduce uncertainty, and improved management as a result of learning.
When using adaptive management, project proponents will generally select several alternative
management approaches to design, implement, and test. The alternatives are generallyincorporated into sound experimental designs. Monitoring and evaluation of each alternative
helps in deciding which alternative is more effective in meeting objectives, and informs
adjustments to the next round of management decisions.
For adaptive management to be effective there must be agreement to adjust management and/or
mitigation measures if monitoring indicates that goals are not being met. The agreement should
include a timeline for periodic reviews and adjustments as well as a mechanism to consider andimplement additional mitigation measures as necessary after the project is developed. The
Service recommends use of adaptive management. The use of adaptive management should be
discussed among the project proponent, Service field office, and the state wildlife agency. The
DOI Adaptive Management Technical Guide is located on the web at:www.doi.gov/initiatives/AdaptiveManagement/index.html .
http://www.doi.gov/initiatives/AdaptiveManagement/index.htmlhttp://www.doi.gov/initiatives/AdaptiveManagement/index.htmlhttp://www.doi.gov/initiatives/AdaptiveManagement/index.html8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
28/87
Introduction
22
OTHER ELEMENTS OF THE DRAFT GUIDELINES
1. Use of Mitigation Policies and PrinciplesIt is important to understand the development activities, species affected, applicable statutes, and
opportunities available in order to ensure proper conservation measures are being applied.
Several tools are available to determine appropriate mitigation, including the Service MitigationPolicy, which provides a common basis for determining how and when to use different
mitigation strategies, and facilitates early consideration of fish and wildlife values in planning of
wind energy projects. Chapter 6 in these draft Guidelines includes additional informationregarding the use of mitigation and elements considered by the Service during mitigation
development. Wind energy developers also should consult with appropriate state, tribal, and
local agencies to ensure compliance with their mitigation requirements.
2. Confidentiality of Site Evaluation Process as AppropriateSome aspects of the initial pre-construction risk assessment, including preliminary screening and
site characterization, occur early in the development process, when land or other competitive
issues limit developers willingness to share information on projects with the public andcompetitors. Any consultation or coordination with agencies at this stage will be held in
confidence to the extent allowed by federal law (e.g., Freedom of Information Act) and Statesmay be limited by their respective public-disclosure laws. The Service will to the extent
allowable by federal law, treat any information identified by the developer as confidentialbusiness information as potentially protected from FOIA under exemption 4.
3. Coordination for Issue ResolutionUnresolved concerns under the provisions of these draft Guidelines need to be expeditious and
effective. The Service and developers should attempt to resolve any issues arising from use ofthese draft Guidelines at the Field Office level. Deliberations should be in the context of the
intent of these draft Guidelines and be based on the site-specific conditions and the best available
data. However, if there is an issue that cannot be resolved within a timely manner at the field
level, the developer and Service staff will coordinate to bring the matter up the chain ofcommand in a stepwise manner.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
29/87
Chapter 1
23
Chapter One
The Tiered Approach for Fish and Wildlife Assessment and Siting Decisions
The following chapters describe in detail the process for each stage of the tiered approach.Additional sections outlining BMPs during site construction, retrofitting,repowering, and
decommissioning phases of a project are included in Appendix D and on the Service s Wind
Web site. The developer should communicate early in the tiered approach (e.g., prior toinvestment, power purchase and landowner agreements) with the Service and other relevant
agencies and stakeholders.
The first three tiers correspond to the pre-construction evaluation phase of wind energy
development. Tiers 4 and 5 refer to post-construction monitoring, assessments and research. Ateach of the tiers, these draft Guidelines provide a set of questions that the Service recommends
developers attempt to answer, followed by recommended methods and metrics to use in
answering the questions. Some questions are repeated at each tier, with successive tiersrequiring a greater time and effort in data collection than previous tiers to answer certain
questions. For example, while Tier 2 assessments may discover existing information on federalor state listed species and their use of the proposed development site, it may be necessary to
collect empirical data in Tier 3 evaluations to determine the presence of federal or state listedspecies.
The decision to proceed to the next tier is made by the developer in coordination with the
Service. The decision is based on whether all questions identified in the tier have beenadequately answered and using methods appropriate for the site selected and the risk posed to
affected species and their habitats. Answers indicating little or no risk for all questions in a tier
may lead the developer to conclude that the tiered approach may end at a particular tier.Developers are encouraged to coordinate with the Service prior to the decision to end the process
at that tier.
A. Tier 1: Preliminary Evaluation or Screening of Potential SitesFor developers taking a first look at a broad geographic area, a preliminaryevaluation of the general ecological context of a potential site or sites can
help prepare for coordination with federal, state, tribal, and/or local agencies.The first step for developers will likely be to identify and eliminate from
consideration those areas that are precluded from development or are inappropriate fordevelopment based on high levels of risk to fish, wildlife, and/or their habitats. The Service is
available to assist developers to identify potential fish, wildlife, and habitat issues and should be
contacted as early as possible in the planning process and prior to any financial commitment or
finalization of any lease agreements.
Tier 1
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
30/87
Chapter 1
24
Development on some areas may be precluded or restricted by federal law or regulations (e.g.,
Congressionally-designated wilderness areas) or by state or local laws and ordinances. Thisdesignation is separate from a determination through the tiered approach that an area is not
appropriate for development due to feasibility, ecological reasons, or other issues. Developers
should consult publicly available databases or other available information during Tier 1 to see if
a potential wind resource area is precluded from development by federal law.
Other areas may be inappropriate for large-scale wind energy development because of their high
wildlife value (e.g. ecological rarity and intactness, etc.), based on best available information.For example, these areas include Audubon Important Bird Areas, The Nature Conservancy
portfolio sites, priority habitats as identified in state wildlife action plans, areas identified as
critical or important for listed species conservation, and areas identified in conservationinitiatives or agreements. It is important to identify such areas through the Tier 1 assessments.
Developers should coordinate with private conservation organizations, state wildlife agencies,
and the Service specifically about such areas in the vicinity of a prospective project site.
Analysis of available sites in the region of interest will be based on a blend of the informationavailable in published and unpublished reports, wildlife range distribution maps, and other such
sources. The developer should check with the local Service Field Office about protected landstatus and biological information.
The Service may also have information on landscape-scale wildlife resources within a wind
resource area that will be useful to developers at the conceptual stage of planning. After theinitial contact with the Service, and preferably with the appropriate state natural resource agency,
the developer should be at the first of several continue/discontinue decision points. Depending
upon the response from the Service regarding potentially affected fish, wildlife and their habitats,the developer should seriously consider whether the areas being considered, or portions thereof,
are appropriate for additional investigation or should be ruled out from further consideration.
Part of this decision would include the intensity and duration of pre-construction surveys likely
to be necessary, the likelihood that additional studies will support what is already knownregarding the site, possible minimization or compensation, and the operational limitations that
may be required in order to develop the site (e.g., shutdown or cut-in speeds, addition of avian
radar to the facility, etc.) as more fully described in the paragraphs below.
Discussions with federal, state, tribal, and/or local agencies in a region being considered for
development can facilitate better collection and interpretation of information and result in a Tier1 process that will likely benefit the developer.
Assessing the potential effects to species and habitats at the landscape scale is important at Tier 1
because it:
helps identify regions where wind energy development will pose substantial risk to
affected species and/or their habitats, including fragmentation of large-scale habitats as
well as threats to regional populations of affected species;
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
31/87
Chapter 1
25
helps to screen landscapes or proposed multiple sites for potential wind development to
avoid sites with high habitat values;
provides evidence that developing a potential site within a landscape may pose a serious
risk to an affected species or its habitat.
1. Tier 1 QuestionsThe following questions help determine where wind development sites should not beconstructed. Developers should attempt to answer these questions during Tier 1 assessments.
Questions to be considered in Tier 1 include:
1. What fish and wildlife resources are known or potentially present in or near the geographicarea under consideration)? Are any areas precluded from development by law or regulation
or identified as high value to fish and wildlife and their habitats, according to best availableinformation present in the geographic area under consideration?
2. Are there known or potential areas (within and beyond the geographic area underconsideration) of wildlife congregation, including, but not limited to: maternity roosts,hibernacula, staging areas, winter ranges, nesting sites, migration stopovers or corridors,coastal migration drop-out zones, leks (male display area), or other areas of seasonal
importance?
3. Are there areas ofintacthabitat in the geographic area under consideration wheredevelopment would result in habitat degradation, loss or fragmentation, and are therespecies sensitive to habitat fragmentation?
4. Are there areas identified as critical for the recovery of a listed species, a core populationarea, or an expansion area of a recovering species within the geographic area under
consideration?
5. Are there plant communities of concern present or likely to be present in the geographic areaunder consideration?
6. Have you contacted relevant agencies?2. Tier 1 Methods and Metrics
When conducting Tier 1 investigations, developers should be able to use existing public or other
readily available landscape-scale maps and databases from sources such as federal, state, local,or tribal wildlife or natural heritage programs, the academic community, conservation
organizations, or the developers or consultants own information. Analysis of available sites in
the area of interest will be based on a blend of the information available in published and
unpublished reports, wildlife range distribution maps, and other such sources. Currentlyavailable data sources useful for this analysis are listed on Service Wind website. It is
recommended that the developer check with the Service Field Office for data specific to the
geographic area under consideration.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
32/87
Chapter 1
26
3. Tier 1 Decision ProcessThe objective of the Tier 1 process is to help a developer identify areas within the geographic
area under consideration where wind energy development would be inappropriate. That is, if
high risk sites or high risk landscapes are identified, they should be avoided. We recommend the
proponent use the following decision key to determine if development at the landscape scale (anda specific site(s) within that landscape) is appropriate.
If answers to all of the first five questions of the Tier 1 questions are no for the sites withinthe geographic area under consideration, this indicates a low probability of adverse effects to
wildlife. Proceed to Tier 2 site characterization and answer the Tier 2 questions with site-
specific data to confirm the validity of the preliminary indications of low potential foradverse effect.
If the answer to any of the first five questions is yes, this indicates a higher probability of
adverse effects to fish and wildlife and their habitats. Consider discontinuing the project at
the area/site, or identify possible means by which the project can be modified to avoid,minimize, and/or compensate for adverse effects. If the area/site(s) is not abandoned, go to
Tier 2, answer the Tier 2 questions with site-specific data, and assess the proposed measuresto avoid, minimize, and/or compensate for adverse effects.
If available data are insufficient to answer one or more of the Tier 1 questions above, proceed
to Tier 2 with the intent of collecting the data necessary to answer the Tier 2 questions, whichinclude those asked at Tier 1.
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
33/87
Chapter 2
27
Chapter Two
Tier 2
A. Tier 2 Site CharacterizationAt this stage, the developer should narrow consideration to specific sites.
Additional data may be necessary to systematically and comprehensivelycharacterize a potential site in terms of the risk wind energy development
would pose to affected species and their habitats. In the case where a site or sites have been
selected without the Tier 1 preliminary evaluation of the general ecological context, thedeveloper will address the questions asked in Tier 1 at this stage. To begin this process, the
developer should answer the following questions, to help determine where wind development
sites should not be constructed. The Service is available to assist developers to identify potential
wildlife and habitat issues and should be contacted as early as possible in the developersplanning process and prior to any financial commitment or finalization of any lease agreements,
if this has not been done already in Tier 1.
A distinguishing feature of Tier 2 assessments is that they focus on site-specific information and
should include at least one reconnaissance level site visit to each of the prospective site(s). Tier
2 assessments should include enough site visits during appropriate times of the year to
adequately account for varying conditions and/or seasons and to adequately ground-truthavailable information.
1. Tier 2 QuestionsQuestions to be considered in Tier 2 include:
1. What fish and wildlife resources are known or potentially present in the area(s) ofinfluence? Are there areas precluded from development by law or regulation or
areas identified as high value to fish and wildlife and their habitats according to
best available information present in the area of influence?
2. Are there known or suspected areas where potentially affected species congregatein the area of influence, including, but not limited to: maternity roosts,hibernacula, staging areas, winter ranges, nesting sites, migration stopovers or
corridors, coastal migration drop-out zones, leks, or other areas of seasonal
importance?
3. Are there areas of intact habitat in the area of influence where development wouldresult in habitat degradation, loss or fragmentation and are there species sensitive
to habitat fragmentation?
4. Are there areas identified as critical for the recovery of a listed species, a corepopulation area, or an expansion area of a recovering species within the area of
influence?
Tier 2
8/6/2019 Wind Energy Guidelines 2-15-2011FINAL[1]
34/87
Chapter 2
28
5. Are there plant communities of concern present or likely to be present in the areaof influence?
6. Do the site visits validate the answers to the Tier 1 questions?7. Have you contacted relevant agencies?
2. Tier 2 Methods and MetricsWhen conducting Tier 2 investigations, developers should be able to use existing public or other
readily available landscape-scale maps and databases from sources such as federal, state, local,
or tribal wildlife or natural heritage programs, the academic community, conservation
organizations, or the developers or consultants own information.
Similar to Tier 1, the analysis of available sites in the area of influence will be based on a blend